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Does the cyber security of AI models need to follow any novel principles that aren’t set out under existing policy and technology security principles? If so, what are these measures and how do the differ from what exists? How do the vulnerabilities/risk of AI model security differ from existing cyber threats?

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This problem is a UK government area of research interest (ARI) that was originally posted at https://ari.org.uk/ by a UK government organisation to indicate that they are keen to see research related to this area.

Does the cyber security of AI models need to follow any novel principles that aren’t set out under existing policy and technology security principles? If so, what are these measures and how do the differ from what exists? How do the vulnerabilities/risk of AI model security differ from existing cyber threats?

In order to ensure the UK is well protected now and in the future we need to build upon our existing knowledge of cyber security risks and the resilience of software supply chains and are working to identify which mitigations the government can leverage to ensure the UK is well protected now and in the future.

We’re also assessing the impact of these mitigations in driving enhanced security measures. A key area of research interest therefore is understanding the consequences of requiring higher levels of cybersecurity for products and digital services sold in the UK. Strengthening this evidence base will help shape and inform future policy work around the regulation of products and business requirements for cyber security.
Some technologies are critical to cyberspace. To build and sustain competitive edge in cyber-related technologies we need a coordinated, rigorous and consistent approach to identify and analyse critical areas of science and technology and prioritise national effort. CSDI is interested inbeing able to better anticipate the science and technology developments most vital to UK cyber power and in analysing thebe opportunities and risks related to those developments.

It is crucial to ensure that digital identity solutions are both secure and inclusive. The directorate seeks to gather further evidence on how best to enable more inclusive digital identity services whilst maintaining robust security measures. Digital identity solutions enable a person to prove something about themselves for the purposes of a transaction, an eligibility check or accessing services. This includes verifying a person’s age when purchasing age regulated products, when undertaking pre-employment checks or opening a bank account. The government is not mandating specific approach, but instead has committed to setting outcomes-based standards in the form of the UK digital identity & attributes trust framework. (https://www.gov.uk/government/publications/uk-digital-identity-and-attributes-trust-frameworkbeta-version/uk-digital-identity-and-attributes-trust-framework-beta-version)
Organisations that adhere to these standards and agree to oversight from the Office for Digital Identities and Attributes (OfDIA) will receive a trust mark, so that businesses and individuals can be confident that their digital identity solution is safe and secure.

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If you are keen to register your interest in working and connecting with DSIT Digital Technology and Telecoms Group and/or submitting evidence, then please complete the DSIT-ARI Evidence survey - https://dsit.qualtrics.com/jfe/form/SV_cDfmK2OukVAnirs.
Please view full details: https://www.gov.uk/government/publications/department-for-science-innovation-and-technology-areas-of-research-interest/dsit-areas-of-research-interest-2024

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This Research Problem does not have any specified conflicts of interest.